Export Control

It is thepolicyof UNTHSC to fully abide by federal laws and regulations, including the Export Administration Regulations (EAR), the International Traffic in Arms Regulations (ITAR), and other bodies of export regulations. University research results can remain compliant with export control laws under the fundamental research exemption by ensuring that it meets the definition offundamental research, which is research that is conducted with a clear intent to publish, and to do so without restriction or required approval, and research that does not voluntarily exclude the participation of foreign nationals or contain other national security controls.

BEWARE!Export controls apply to all activities not just sponsored research projects.

A.Travel with UNTHSC Owned Electronic Devices outside the U.S.

Researchers commonly take their laptops with them, both across campus and around the world. Researchers need to be aware that they are effectively exporting their laptops not only when they take their laptop aboard, but also when they allow a person in a foreign country to use their laptop or allow a foreign national access to their laptops in the United States.

Travel outside the U.S. can present export control issues for UNTHSC employees. There are government regulations that affect:

Supplying certain technologies /data at a “closed” conference or meeting (not open to all technically qualified members of the public, and attendees are not permitted to take notes)

Money transactions and the exchange of goods and services in certain countries

Travel to sanctioned / embargoed countries

Doing business with certain people or entities

Taking items with you on a trip in support of your research or conference such as

Laptops

Encryption software

Data / technology

Blueprints, drawings

What this means is that a license could be required from the Departments of Commerce, State, or Treasury depending on what you are taking and the country you are traveling to.

Fortunately, travel to most countries does not usually constitute an export control problem. In some cases, an exception or exemption to the license requirements is available; however, regulations require the exception / exemption to be documented, and records must be kept for five years.

A researcher should confer with the Office of Research Compliance before traveling outside the U.S. with items or information to confirm whether an export license is required and if so, that it is obtained before the export controlled technology or information leaves the U.S.

Export of designated biological and chemical toxins that have the potential to pose a threat to human, animal or plant life may require a license from the Bureau of Industry and Security (BIS). The scope of items subject to this licensing requirement is broader than "select agents".

The Department of Commerce may require a license for the export of:

Designated human, animal and plant pathogens, zoonoses and toxins

Genetically modified microorganisms or genetic elements that contain nucleic acid sequences associated with the pathogenicity of a controlled organism or that code for a controlled toxin

genetic material, and products which might be used for culture of large amounts of agents